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One dimension of the ND Act is that it establishes a regulatory framework for medicinal cannabis. The ODC can be viewed in that setting as an Australian Government regulatory body. The ND Act contains a familiar range of regulatory functions and powers that are exercisable by the ODC under delegation from the Secretary of the department. They include powers to impose conditions on licences, investigate compliance by licence holders with those conditions and the requirements of the ND Act, enter premises, question people, gather information, issue directions, and vary and revoke licences. Those controls are reinforced by civil penalty and offence provisions in the ND Act.
There was little comment during this Review in submissions and consultations on the nature and breadth of those powers and how they are being exercised. There was general acceptance that the regulatory focus is important in the medicinal cannabis scheme, given Australia's overriding obligation to comply with the Single Convention. The Convention emphasises the need for tight government control on the cultivation and manufacture of cannabis as a narcotic drug that is susceptible to misuse and criminal enterprise.
There was frequent acknowledgement too in this Review that both the ODC and industry have worked constructively - separately and in collaboration - to ensure voluntary compliance with licence obligations and regulatory standards. That is typically branded as the central goal of effective regulation.
The regulatory framework is nevertheless a fundamental and lasting feature of the ND Act. At this early stage of the medicinal cannabis scheme, the primary emphasis has been on implementation and the grant of licences and permits. Circumstances may later require more assertive compliance enforcement activity and the exercise of regulatory powers that have been little used to date.
This chapter describes the regulatory framework in the ND Act, with some observations and recommendations. This is done to highlight the central place of the regulatory framework in the medicinal cannabis scheme. The principal recommendation at the end of the chapter is that the ODC develop and publish more extensive guidance than has been published to date on the ODC's regulatory approach and priorities.